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T. D. 8921 DEPARTMENT OF THE TREASURY Internal Revenue Service 26 CFR Part 1 Tax Treatment of Cafeteria Plans AGENCY Internal Revenue Service IRS Treasury. ACTION Final regulations. SUMMARY This document contains final regulations relating to section 125 cafeteria plans.
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Decisions on 26 CFR refer to the judicial decisions or rulings made by the United States Department of the Treasury, specifically the Internal Revenue Service (IRS) or the Office of Chief Counsel, on matters related to Title 26 of the Code of Federal Regulations (CFR). These decisions serve as guidance for interpreting and applying the tax laws and regulations.
The IRS and the Office of Chief Counsel are responsible for filing decisions on 26 CFR. These decisions are made by the agency in response to various tax cases, disputes, or related matters.
Decisions on 26 CFR are typically filled out by the internal legal department within the IRS or the Office of Chief Counsel. The process involves documenting the relevant details and legal reasoning behind the decision, including a summary of the case, the applicable regulations or statutes, and the legal analysis leading to the decision.
The purpose of decisions on 26 CFR is to provide guidance and precedents for taxpayers, tax professionals, and the IRS itself in interpreting and applying the tax laws and regulations. These decisions help ensure consistent and fair enforcement of the tax laws and promote transparency in tax administration.
Decisions on 26 CFR must include information such as the case or ruling number, the parties involved, the relevant facts and circumstances, the specific issue(s) addressed, the legal analysis, and the conclusion or decision reached. Additional information may be included depending on the complexity and significance of the case.
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